DOCKET SECTION 1’ ;. Ii!,,: 2 BEFORE THE POSTAL RATE COMMlSSlON WASHINGTON DC 20268-0001 POSTAL RATE AND FEE CHANGES, REBUTTAL Docket No. R97-1 1997 TESTIMONY M. RICHARD “‘! ?JSPS-RT-I i.! irn 1: 7’; -i jii :yc OF PORRAS ON BEHALF OF UNITED STATES POSTAL SERVICE I CONTENTS AUTOBIOGRAPHICAL SKETCH. . . . ..________.__.............................................. . .. . ...______._....................................................... 1 VIEWS . .. . .._.................................................. 1 I. PURPOSE II. FLAWS IN DR. STAPERT’S Ill. THE POSTAL SERVICE’S REVENUE REQUIREMENT AND MANAGEMENTS GOALS AND OBJECTIVES . .. . .._____..._........................... 4 THE PITFALLS 6 IV. A. B. C. D. V. OF CHANGING ORIGINAL ESTIMATES .._.....___..._.__....... Conceptual Flaws and the Issue of Fairness.. ................................... FY 1997 Actual Results .................................................................... Technical Problems.. ......................................................................... Impact of Other Changes on the Revenue Requirement.. ................. GIVEN ALL THE RELEVANT FACTS, THE REVENUE REQUIREMENT SHOULD NOT BE ADJUSTED .................................................................. A. B. C. VI. OF TESTIMONY i. Balancing Conflicting Goals ............................................................... Other Considerations ......................................................................... Lessons from Docket No. R90-1 ........................................................ CONCLUSION . ..___........__.___...................................................................... EXHIBITS . . ...___............................................... ._................._........................ 6 7 8 11 16 16 17 19 21 23 Rebuttal Testimony of M. Richard Porras AUTOBIOGRAPHICAL 1 SKETCH My name is M. Richard Porras, and I am Vice President, Controller, 2 United States Postal Service. 3 1986; my previous title was Assistant 4 Controller. 5 the financial management 6 payroll, accounting 7 also direct the Postal Service’s capital investment 8 Master’s Degree in Business Administration 9 Los Angeles. My responsibilities for the I have held the Controller position since March Postmaster General, Department include the establishment, operations direction and control of of the Postal Service, including budget, systems and operations I have completed of the in the Accounting program. Service Centers. I received a from the University of California at the Advanced Management Program at Harvard 10 University. I began my career with the Postal Service in 1963 as a post office 11 clerk in Los Angeles, California. 12 1970, and subsequently 13 Accounting 14 General Manager of the Budget and Cost Division in the Postal Service’s 15 Southern 16 District Manager of the Northern New Jersey District. 17 assignments 18 Regional and Reporting I was selected as a management trainee in served as a general foreman of mails, Manager of Systems, and Director of Finance. I then served as Region, Regional Director of Finance in the Northeast as Officer-in-Charge Director of Customer Region, and I have also served in detail of the Bronx, New York, Post Office and as Services in the Northeast Region. i I have I 1 represented the Postal Service in Exchange Programs with the Federal Republic 2 of Germany since 1984 and with the Japanese 3 1994, I was named Chairman of the Postal Development 4 international Post since 1992. In October committee of the Universal Postal Union. Action Group, an 1 1 I. PURPOSE OF TESTIMONY Dr. John Stapert, testifying on behalf of the Coalition of Religious Press 2 3 Associations, has characterized the Postal Service’s revenue requirement 4 as out of touch with reality. 5 record, of the Postal Service’s rapidly improving financial health and of the Service’s 6 prospect-even 7 rebuts Dr. Stapert’s assertions by demonstrating 8 Service’s revenue requirement, and explaining 9 in this case, other than to reflect actual FY 1997 results in the recovery of prior years’ He urges the Commission under current rates-for is neither appropriate continued 10 losses calculation, 11 test year revenue requirement 12 and other known significant test year changes. in this docket to “prompt disclosure, robust surpluses.“’ the reasonableness on the My testimony of the Postal why changing the revenue requirement nor necessary. I also provide a summary of changes that result from the use of actual inflation data 13 14 II. FLAWS IN DR. STAPERT’S VIEWS Dr. Stapert states that as a practicing clinical psychologist 15 16 people “whose perception 17 Service’s revenue requirement 18 on the fact that the Postal Service has restored a significant amount of its negative ’ CRPA-T-1, ’ CRPA-T-1, 3 CRPA-T-1, of reality is significantly he meets page IO. line 23. page 10 line 3. page 10, line 8. distorted”* and that “the Postal reminds me of such patients.“3 He bases his diagnosis 2 1 equity over the past three years and the fact that it did better financially 2 the net income reflected in its operating budget. in FY 1997 than Dr. Stapert asserts that because the Postal Service did better financially 3 4 1997 than was estimated in its operating 5 no longer reasonable. 6 on the basis of one symptom, 7 history, neither can the financial condition of the Postal Service be assessed 8 superficially. budget, the test year revenue requirement 9 flaws. Just as a doctor would not diagnose ignoring the patients Further examination in FY a patients other conditions condition merely and medical so reveals that Dr. Stapert’s views suffer from serious First, Dr. Stapert has done no analysis to ascertain what factors contributed 10 11 better-than-estimated 12 results and the rate case estimates carry forward into the test year. Me has ignored 13 evidence showing that several significant variances which contributed 14 financial outcome 15 below. 16 Second, performance is in FY 1997 or if the differences in FY 1997 will not recur in the test year? Dr. Stapert has also not addressed to between actual to the favorable I discuss these more fully other critical factors affecting the 17 Postal Service’s financial condition that were raised by witness Tayman in his 18 testimony. 19 Board of Governors’ “Without the proposed rate increase, the Postal Service cannot meet the 4 Tr. 914437-40. policy on equity restoration, nor can it fund expenditures critical to 3 1 the future viability of the Postal Service.” 2 take into account Mr. Tayman’s 3 the test year, the proposed 4 endure beyond the test year in this case. Tr. g/4458. 5 requested 6 to continue service improvements, 7 improve our infrastructure, 8 could result in a substantial 9 Service must address the issue of how the Postal Service can carry out programs and rate increases USPS-T-g, explanation at 9. Dr. Stapert .also does not that, because of the hypothetical rates and additional nature of net revenue were intended to and will The net revenue generated is intended to fund, among other things, programs “designed improve responsiveness and reduce costs in the future.” to customers, Id. Any proposal which reduction in the net revenue requested by management maintain and by the Postal 10 policy choices determined 11 the Postal Service and the public without the rates and revenue requested. 12 Stapert’s overly simplistic analysis has failed to address these issues, which I also 13 discuss in more detail below. 14 by the Finally, in his testimony and the Board to be in the best interests of Dr. Dr. Stapert refers to the variance between rate case 15 estimates and the FY 97 operating budget as a basis for criticizing the Postal Service’s 16 revenue requirement. 17 operating 18 c,ase and reflected significantly 19 versus $636 million in the rate case). 20 in response 21 from the rate-case Tr. 22/l 1745. He does not take account of the fact that the budget was developed to an interrogatory prior to the FY 1997 estimate developed for the rate less net income ($55 million in the Operating Dr. Stapert has reconsidered Budget his, position, stating that “within the context of this proceeding, variances estimate of $636 million FY 97 net income are more relevant than 1 are variances 2 22/l 1765. from the Postal Service’s FY 97 plan of $55 million net income.” Tr. 3 III. THE POSTAL SERVICE’S REVENUE GOALS AND OBJECTIVES. It is essential that the Commission’s 8 goals and objectives 9 objectives REQUIREMENT Recommended set by postal management. are established AND MANAGEMENT’S Decision not undermine Management’s as part of an extensive process. financial goals and These goals, and the future IO of the Postal Service, could be compromised 11 net revenue requested 12 response that witness Tayman provided to DMWJSPS-TS-39, 13 not included in the record thus far. As witness Tayman, explained, 14 believe: by the Postal Service. 15 If changes to the revenue requirement 16 Decision that significantly 17 Postal Service in this filing, management’s 18 be undermined, 19 from the Postal Service’s proposals. 20 assessment 21 complex array of quantitative 22 furthermore, 23 embodies management’s 24 balanced, and about the appropriate 25 Service. especially the by significant changes to the amount of In this respect, I endorse and adopt the which was apparently and as I also were to result in a Recommended changed the amount of net revenue requested current goals and objectives if the revisions were to result in significant by the could departure As I have tried to explain, management’s of the overall revenue requirement is the result of balancing and subjective considerations. including the specific pricing and classification The entire filing, proposals, judgment about how those considerations should be financial policy goals for the Postal This is not to say that any departure a from specific proposals or 5 1 estimates would necessarily 2 believe, however, that any mechanical 3 case due to more recent information, 4 change in the Postal Service’s pricing and other proposals, 5 and would likely subvert the Postal Service’s policy objectives. 6 any changes 7 assessed 8 context of the entire filing. In this respect, it would not be unreasonable, 9 unprecedented, compromise management’s adjustment l do of the revenue goals in the in a way that would lead to substantial in estimates due to actual performance comprehensively, financial policy. and not selectively, would be a mistake Accordingly, or other events should be and should be evaluated in the nor for the Postal Service to conclude that the effects of particular 10 changes, 11 elements of the revenue requirement 12 to determine 13 by adherence 14 reasoning 15 unforeseen 16 alter its proposals. For example, this is what happened in Docket No. R90-1, 17 with the passage of the Omnibus Budget Reconciliation Act (OBRA) of 1990. 18 In that case, the Postal Service evaluated the effects of the change and 19 decided that the increased 20 alter the overall amount of revenue sought in the case. 21 Service would settle for a reduction in the amount available for contingencies, 22 which in the context of the entire filing was judged to be a reasonable 23 adjustment. 24 facts of this case. including actual financial performance, caused a reasses:sment of the in a way that permitted the Postal Service that its financial and other policy objectives were still best served to its original revenue requirement. In fact, this is exactly the that has led the Postal Service to conclude in past cases that expenses or liabilities that came to light during the litigation did not expenses in the interim and test years should not A similar reassessment Rather, the Postal might be appropriate on the particular 25 26 27 Reducing the revenue requirement would undermine the Board’s financial policy with respect to program initiatives, the size and frequency of rate increases, and the 6 1 restoration 2 Commission 3 as not to subvert the policy objectives of management 4 to update the Postal Service’s original estimates despite the compelling 5 update, which I now present. of equity, I agree completely with Mr. Tayman’s assessment and urge the to evaluate the impact of any potential revenue requirement changes so and the Board, should it decide reasons not to 6 7 IV. THE PITFALLS OF CHANGING ORIGINAL ESTIMATES 8 9 A. Conceptual Flaws and the Issue of Fairness Due to the time it takes to develop and litigate a rate case, it is inevitable 10 11 that some of the factors upon which the original estimates were based will change 12 subsequent 13 comprehensively, 14 remains a reasonable 15 believes that no adjustments 16 to the filing, and this case is no exception. the revenue requirement requested However, when looked at by the Postal Service in this case basis upon which to base new rates and the Postal Service are necessary. The practice of substituting the ratemaking updated information process. for original estimates 17 complicates I believe such an approach is unwise for a 18 number of reasons. Updated information 19 review by interested parties that the ratemaking 20 It seems unfair for intervenors 21 estimates only to have them changed after the fact. A Recommended does not receive the thorough analysis and process provides for original estimates. to spend months evaluating the Postal Service’s Decision based 7 1 on information substituted for original estimates at the end of the case does not afford 2 rate case participants 3 ramifications of the changes. 4 workpapers, and a re-running of the rollforward model (i.e. starting over again from 5 scratch), updating also increases the odds of errors and a flawed revenue requirement. 6 When major changes are made to the original filing, issues that might otherwise 7 been resolved during the process of discovery and hearings would not even surface 8 until after the Commission’s the opportunity to review, analyze and comment on the Without a complete update of all affected testimonies, Recommended have Decision is a fait accompli. 9 IO B. FY 1997 Actual Results Before I discuss other potential problems that could result from updating, 11 I 12 will address FY 1997 actual results and their potential effect on Test Year expense 13 estimates. 14 FY 1997 estimated 15 estimated, 16 0.3 percent under the amount estimated in the filing. This relatively minor difference 17 a strong indication that the substitution 18 estimates 19 unnecessary. 20 results, the adjustment 21 the rollfonnrard model should not have a significant effect on test year segment costs. In (See Exhibit A). It must first be noted that most of the favorable variance to net income was related to revenue, which was higher than primarily because of the UPS strike. Actual FY 1997 expenses were only is of actual FY 1997 expenses for the FY 1997 reflected in this filing would add needless complexity to the case and is Because the FY 1997 expense estimates were very close to the actual of FY 1997 estimates to reflect actual FY 1997 expenses into 8 1 addition, the substitution of actual FY 1997 expenses for the amounts currently 2 reflected in the filing carries the significant risk, which I will discuss below, that invalid or 3 insufficient test year estimates could result. 4 Technical 5 C. 6 Technical Problems problems could also result from the substitution of actual FY 1997 7 results as the base from which expenses are rolled-forward a strike had a dramatic effect on FY 1997 finances. 9 revenue and expense related to the strike should or should not be rolled-forward into the test year. The UPS While approximations of how much into 10 the test year might be made, the accuracy and validity of such estimates would be 11 questionable. 12 and valid test year revenue requirement.5 13 I believe reliance on the FY 1996 actual base provides a representative Another technical issue relates to the fact most of the other program change 14 factors used to develop test year cost component 15 were zero based. 16 for FY 1997, this does not reduce the amount required for other programs 17 year. If the Commission Even though some programs estimates reflected in the rollforward incurred less expense than estimated in the test were to update FY 1997 to reflect actual expenses, the ’ Any effects on FY 1996 operational experience arising from changes due to classification reform have been considered in the rollfonvard model and addressed elsewhere in the record of these proceedings. These adjustments are discussed in the testimony of witness Patelunas, USPS-T-l 5, pages 14-15. The calculation of the adjustments is presented in USPS LR-H-126. 9 1 application of the original other program change factors would in many cases result in 2 underestimated 3 impact on the future life of the programs. 4 ADP supplies and services, was estimated to be approximately 5 1997 and $721 million in the test year due to a major emphasis on new and upgraded 6 computer systems including Point of Service, Corporate 7 Office Infrastructure, a 1997 expenses 9 original test year other program change factor of $295 million to actual FY 1997 cost component totals for the test year and would have a detrimental Air Reservation for component For example, the cost of component $426 million for FY Call Management, System, and Year 2000 Software. 174 were less than estimated. 174, Associate The actual FY Thus the addition of the 10 component 11 the Postal Service’s program plans during the test year and in future years during which 12 the proposed 13 well. As witness Tayman testified, these initiatives are “designed to continue service 14 improvements, 15 infrastructure, 16 elements in carrying out the Board of Governors’ 17 174 costs would result in a test year estimate that is insufficient to support rates might be in effect. This effect would apply to other programs improve responsiveness to customers, and reduce costs in the future.” as maintain and improve our USPS-T-g, at 9. They are critical policy determinations. Another similar example of this situation relates to workers’ compensation ia expense. As witness Tayman testified, the reduction to FY 97 workers’ compensation 19 expense relates mainly to prior year injury costs and is not expected to be repeated in 20 the test year. Tr. g/4439. Consequently, the addition of the original workers’ 10 1 compensation 2 FY 1997 would result in a total test year expense that is too low. 3 other program change factor for the test year to the actual expense for As the discussion above makes clear, virtually all change factors for other 4 programs would require recalculation 5 FY 1997 actual results are substituted 6 could be done, it would be time consuming 7 original estimates, a proposals. 9 in order to present accurate Test Year estimates for the current FY 1997 estimates. and would not be superior to relying on the in light of the overall appropriateness A related technical of the Postal Service’s issue which warrants examination IO difficulty of substituting 11 Model(s) contained 12 involve not only the development 13 also require changes to the models themselves 14 the base year. 15 and manual intervention, 16 workpapers. 17 substitute the results into the rollforward factor development ia adjustments 19 would be substantial. 20 apply to actual FY 1997 mail volume. 21 result in completely is the complexity FY 1997 actual results into the Rollforward in Library Reference While this H-l 2. Incorporating and incorporation and Expense Factor these changes would of updated actual data, but would in order to accommodate FY 1997 as Such changes would require a significant amount of re,-programming including revisions of numerous supporting schedules and The time required to identify and calculate the required adjustments, to other model components, model, make any needed and produce updated rollforward factors The need to update for actual data could also be construed to Such an exercise would for all practical purposes redoing the revenue requirement. In my opinion, it is both unwise if II 1 and unwarranted to attempt such major revisions at the eleventh hour. This is 2 particularly true when the factors produced by such an exercise and their use in 3 developing updated test year costs are untested and would not be subjected 4 as part of this proceeding. 5 between the expenses 6 relatively minor effect on test year expenses of the changes which are identified 7 Exhibits B and C, it becomes intuitively obvious that updating should have a negligible a impact on the overall test year revenue requirement 9 applied. to scrutiny When one considers the relatively minor differences estimated for FY 1997 and actual FY 1997 expenses, if calculated and the in correctly and properly However, updated factors and changes could result in errors and a deficient 10 revenue requirement if calculated incorrectly or improperly applied. In the final analysis, 11 updating for FY 1997 actual results would not be superior to relying on estimates 12 founded on the original FY 1996 base year. 13 Impact of Other Changes on the Revenue Requirement 14 D. 15 In addition to FY 1997 actual results, a number of other changes have occurred 16 that affect test year accrued costs. In total, these changes have a relatively minor 17 impact and for that reason I would argue that there is no compelling ia adjustments, particularly 19 considered. The identified changes to test year accrued cost are calculated 20 workpapers and exhibits and summarized when the numerous problems associated reason to make ,the with updating are in my in Exhibit B. The revenue requirement is 12 1 summarized 2 identified. 3 in Exhibit C. I will briefly discuss each of the changes that have been The July 1997 and January 1998 cost-of-living allowances (C0L.A) paid to 4 bargaining 5 estimated to be $333 and $270 per eligible employee, 6 CPI-W used for this filing. The actual COLAS were lower than estimated 7 $167 per eligible employee. a $207.8 million, CSRS Unfunded 9 annual leave expense by $3.2 million. 10 unit employees beginning August 30, 1997 and March 14, 1998 were This reduces the test year personnel The employer contribution at $166 and cost level change by Liability expense by $17.8 million, and repricing of rate for employees covered by the Federal 11 Employees’ 12 of basic pay, effective October 1, 1997. This change was not known at the time the 13 revenue requirement 14 change by $102.3 million. 15 Retirement based on the DRI forecast for the System (FERS) was reduced from 11.4 percent to 10.7 percent was developed and reduces the test year personnel The effect of actual Federal Employee cost level Health Benefit Program premiums The Office of Personnel Management has 16 also been calculated. had estimated that the 17 employer share of health benefit premiums effective on January 3, 1998 would increase 18 by an average 5.0 percent, and this assumption 19 level factors and annuitant 20 average Postal Service annuitant 21 amount was calculated from the December, was used to develop personnel cost health benefit costs in this filing. The actual change in health benefit premiums was 4.6 percent. 1997 and January, This 1998 annuitant health 1.3 1 benefit bills from the Office of Personnel 2 premiums per active employee was 3.72 percent based on the USPS health benefits 3 enrollment 4 covered employees both before and after the open season. 5 test year personnel costs by $23.0 million. The actual increase in average status report, which reflects the actual cost of premiums and the number of In addition to cost level, the personnel 6 7 impact personnel a mix adjustment. 9 million. 10 Management. related cost reductions, These changes decrease cost changes discussed other programs, workload, above also and the workyear The net test year impact of these changes is a decrease of $3.6 The test year effect of actual FY 1997 inflation indices on non-personnel 11 and CSRS annuitant 12 are reduced by $27.2 million when actual calendar year third quarter CPI indices are 13 substituted 14 reduced by $57.6 million as a result of substituting 15 the DRI inflation estimates used in the filing and the net impact of similar changes on all 16 other non-personnel 17 changes are quantified in Exhibit G. ia COLAS has also been calculated. for the estimated third quarter indices. CSRS annuitant costs COLA costs Test year transportation costs are actual FY 1997 inflation indices for costs is an increase of $0.7 million. The non-personnel cost level Note interest will be lower in the test year by $116.3 million as a result of 19 borrowing less than estimated 20 updated to reflect this change. 21 the capitalization at the end of FY 1997. Test year note interest was Tr. 19C/9199-9204. This decrease of less interest expense than originally estimated is partially offset by in this filing. The 14 1 original capitalized interest estimate of $67.4 million has been reduced by $29.4 million 2 to reflect FY 1997 actual results. 3 than originally 4 under $5 million (interest on which is not subject to capitalization). Projects are being closed out in a more timely manner assumed and a significant amount of building improvement The Postal Service assumed the liability for Post Office Department 5 6 Compensation costs as required by recently-enacted 7 (P.L. 105-33). This increases test year costs by $14.3 million as Cahk3ted a response to OCA/USPS-TIO-1, Standards 11 assets. 12 building’s fair market value or undepreciated 13 additional depreciation 14 depreciation Board Statement in the (FASB) 121 which relates to the treatment of impaired FASB 127 requires that impaired buildings be revalued to the lower of the expense balance. This resulted in $56.8 million of expense in FY 1997 and is estimated to increase test year by $15.0 million. I have also included a reduction of $55.3 million to reflect a correction to the 16 calculation 17 Patelunas. ia Officer’s Information 20 legislation which I have included in my workpapers. 10 19 Workers’ The Postal Service has also been required to comply with Financial Accounting 9 15 budget reconciliation projects are of the FY 1997 volume variability adjustment The corrected amounts were calculated calculated in the response to Presiding Request No. 12, question 7. There are also several significant changes to programs. are summarized by witness in Exhibit E. Program cost changes 15 Through accounting 1 period five of FY 1998, highway transportation costs are 2 11.6 percent higher than the same period in FY 1997. This trend is expected to 3 continue through the end of FY 1996. More stringent two- and three-day 4 and an increased 5 transportation 6 estimated to add an additional $115.8 million to test year costs. emphasis on achieving those goals has resulted in additional costs. As reflected in Exhibit F, highway transportation The establishment 7 service goals of most of the new Mail Transportation highway costs are Equipment Centers a has been deferred until FY 1999. The program manager has indicated that most of 9 these costs will not be incurred in FY 1998. This reduces test year costs by a net of 10 $52.2 million. The Year 2000 Software program has been better defined since the rate case 11 12 estimates were made and it was determined that a more aggressive posture is 13 necessary 14 with year 2000 issues. This increases test year costs by $298.0 million and represents 15 a critically important need for the future. in order to ensure that the Postal Service’s systems are upgraded While some other programs are currently behind on their spending 16 to deal plans, their 17 program managers have indicated that they will catch up as the year progresses. ia have indicated that approved FY 1998 program expenses will be incurred. 19 increase requested 20 facilities, and systems necessary to hold down costs and continue to improve service 21 quality. by the Postal Service is intended to fund investments These programs and~the revenue requirement level necessary They The rate in equipment, to support them 16 1 have been carefully reviewed and approved by management 2 Governors. 3 the levels included 4 estimates 5 or the first part of FY 1998, would constitute inappropriate 6 execution 7 There is no justification and the Board of for any reduction of these planned expenses from in the revenue requirement. In my opinion, any adjustment in the nature of predicting expenses based on actual experience interference of these for FY 1997 with the of the Board’s policy in choosing to fund these programs. The effect of all of the changes discussed above is summarized a These changes 9 percent of the original amount estimated for test year accrued costs. on Exhibit 8. result in a net decrease to test year expenses of $195.0 million or 0.3 IO changes of this magnitude 11 requirement In my opinion do not warrant updating the Postal Service’s revenue for reasons on which I elaborate below. 12 13 14 15 16 17 v. GIVEN ALL RELEVANT NOT BE ADJUSTED A. Balancing FACTS, THE REVENUE Conflicting SHOULD Goals The Postal Service opted to assume additional contingency REQUIREMENT risk by requesting ia percentage 19 keep rate increases 20 balancing the conflicting 21 events during the test year and beyond, and keeping rate increases 22 inflation, the Postal Service chose to emphasize the smallest provision ever in this filing because of an overriding desire to as low as possible and below the rate of inflation. goals of providing adequate protection Faced with against unforeseen below the rate of the latter in this case. The Postal 17 1 Service opted to live with a level of protection 2 considered 3 testified, “the Postal Service might have opted for a larger contingency 4 costs projected for this filing had been lower.” 5 Tayman’s testimony 6 documented in my testimony 7 contingency to the Board. a 9 adequate in order to accommodate below what it normally would have its rate level goals. As witness Tayman Tr. 9/4458. by stating that had the moderately associated Let me reinforce Mr. lower expenses been known, I would have recommended While improved financial results may have diminished with such a small contingency if the test year I have a slightly larger the amount of risk provision, the rates requested by the Postal 10 Service in this filing remain reasonable. They represent an overall increase that is less 11 than half the rate of general inflation; and by waiting until the fourth quarter of FY 1998 12 or later, their implementation 13 longer than was originally anticipated. 14 keeping the rate increase below the rate of inflation are being accomplished 15 jeopardizing will have been deferred for at least a year and a half The goals of extending the rate cycle and the progress that has been made in recovering without prior years’ losses. 16 Other Considerations 17 B. ia Another factor that contributed 19 contingency 20 the rate case was developed. to the original decision to opt for a lower provision was the favorable economic environment that existed at the time Although the Postal Service’s recent financial results 18 1 have been favorable, 2 due to the recent Asian and Latin American financial crises. 3 the economic outlook is currently considerably I am also aware of draft Congressional legislation which would require the Postal 4 Service and other Federal agencies to absorb the cost of correcting 5 suffered by employees 6 1984 to 1987 when the Government 7 System. a significant 9 who were placed in the wrong retirement Rough preliminary unanticipated more uncertain established financial inequities plan during the period the Federal Employees Retirement estimates indicate that the Postal Service could incur costs during the test year. Were the rate case filing being made at this time, the increased potential for IO adverse economic and legislative impacts during the test year would c:learly support the 11 need for more protection 12 provision. 13 still be less than the 2.0 percent requested in Docket No. R94-1 and the 3.5 percent 14 contingencies 15 during the test year in the form of a larger contingency For example, an amount equaling 1.5 percent of accrued expenses requested would in the three rate cases prior to that. The Postal Service remains satisfied with its filing based on its ,original estimates 16 and its requested revenue requirement 17 warranted. ia could be viewed as the recognition 19 by a slightly larger contingency. 20 significant changes 21 should consider the practice followed in prior cases where it refrained from explicitly Recommending and does not believe changes are necessary the revenue requirement of moderately requested or by the Postal Service lower expense levels that are offset However, should the Commission be inclined to make or attempt to update the Postal Service’s revenue requirement, it 19 incorporating evidence of increased costs based on actual experience. revenue requirement requested. effectively provided less for contingencies In this case, the revenue requirement requested carry out Board policies leaves more for contingencies estimates based on actual experience. The resulting than originally by the Postal Service to if the Commission The resulting effective contingency reduces in the range of 1.5% would be very reasonable. C. Lessons from Docket No. R90-1 The Commission should be mindful of the adverse consequences that resulted IO from changes to the Docket No. R90-1 revenue requirement. 11 Service took the position that its revenue requirement 12 despite changes that had taken place after the tiling. These changes included the 13 additional test year costs related to the OBRA of 1990 which only became known very 14 late in the proceeding. 15 Service advised the Commission 16 negative effect on the Postal Service’s financial condition and would effectively 17 the Postal Service’s contingency ia percent. 19 information, 20 to live with the rates and revenue requirement 21 now considered Recognizing especially In that case the Postal remained at an appropriate level At the time the impact of OBRA became known, the Postal that the additional OBRA costs would have a large provision from the 3.5 percent it had requested the practical constraints reduce to 2.3 involved in dealing with updated after the record had closed, the Postal Service made a decision it had requested to be deficient as a result of the OBRA of 1990. even though they were Instead of accepting 20 1 the Postal Service’s compromise position, the Commission 2 Service’s revenue requirement 3 1990 and still balance back to a revenue requirement 4 originally requested. 5 recommended “differs from that proposed 6 developments) by the Postal Service, but since it rests on recognition 7 facts we consider it a more soundly-based 8 Commission 9 claimed, based on its view of updated information, in such a way as to include the costs of the OBRA of According to the Commission, the revenue requirement revenue requirement also reduced the rate increases requested produce the same amount of revenue estimated 11 rates it requested. 12 rates and the revenue requirement 13 amount estimated The Commission that was close to the amount they (and adhered to in the face of subsequent 10 of established figure.“6 The by the Postal Service and then that their revised rates would by the Postal Service to result from ,the estimated that the net impact of its changes to would produce a test year net income very close the by the Postal Service in its filing. If the Commission’s 14 opted to adjust the Postal changes had been valid, the Postal Service would have 15 realized a net income during the test year (FY 1992). 16 incurred a sizable net loss. While part of the contingency 17 offset the cost of restructuring, 18 should have been able to realize a net income if the Commission’s 19 reliable. Exhibit D compares Instead the Postal Service even with that unanticipated the Commission’s ’ Docket No. R90-1, Postal Rate Commission Volume 1, Page Ii-1 (January 4, 1991). provision had to be used to cost the Postal Service estimates had been Docket No. R90-1 Recommended Opinion and Recommended Decision, 21 1 Decision to actual FY 1992 results. 2 $885 million more than the revenue that actually resulted from the reduced rates it 3 recommended. 4 actual Postal Service expenses. 5 estimates that were closer to actual results than would have resulted if the Postal 6 Service’s filing had been left unchanged 7 Commission’s 8 cost overrun of $1.628 billion which effectively consumed 9 contingency 10 contingencies 11 compensate 12 R90-1 test year. The Commission’s The Commission’s updated revenue estimate was accrued cost estimate was $743 million lower than The Commission’s as the Postal Service had urged. changes and mis-estimates provision recommended changes clearly did not result in resulted in a combined by the Commission. of the same magnitude revenue shortfall and the entire 3.5 percent The amount requested in this case is much smaller and would therefore for mis-estimates The for not be able to experienced in the Docket No. 13 14 15 VI. CONCLUSION For all these reasons, I believe that the revenue requirement 16 current filing remains reasonable 17 the Postal Service, I urge the Commission 18 No. R90-1 when it substantially 19 These changes seriously compromised 20 and contributed 21 demonstrated uncledying the and does not require any adjustment. On behalf of not to repeat the mistake it made in Docket changed the Postal Service’s revenue requirement. to the occurrence management’s financial goals and objectives of a loss in the test year. My testimony that the revenue requirement requested has clearly by the Postal Service remains a 22 1 reasonable basis for determining 2 support the goals and objectives 3 Board of Governors. 4 that is supportive I encourage new rates, and the amount of revenue required to established by Postal Service management the Commission to render a Recommended of, and consistent with, these initiatives. and the Decision 23 EXHIBITS STATEMENTS OF REVENUE AND EXPENSEFY 97 ACTUAL COMPARED TO ESTIMATE USPS-RT-1 1A IMPACT OF KNOWN CHANGES ON DOCKET R97-1 TEST YEAR ACCRUED COSTS USPS-RT-11 B UPDATED DOCKET R97-1 TEST YEAR REVENUE REQUIREMENT USPS-RT-11 C COMPARISON OF DOCKET R90-1 PRC RECOMMENDED DECISION TO ACTUAL RESULTS USPS-RT-11 D MAJOR PROGRAM TEST YEAR USPS-RT-11 E CHANGES ESTIMATED FY 1998 HIGHWAY EXPENSE IMPACTING DOCKET R97-1 TRANSPORTATION IMPACT OF FY 97 ACTUAL NON-PERSONNEL FACTORS ON R97-1 USPS-RT-11 F INFLATION USPS-RT-11 G EXHIBIT USPS-RT-11A STATEMENTSOF REVENUEAND EXPENSE (S IN MILLIONS) FY 1997 FY 1997 ESTIMATE ACTUAL 1 2 3 4 687 6 9 10 11 12 13 14 15 76 17 16 19 20 Over (Under) Estimate Amount % OPERATING REVENUE APPROPRIATIONS INTEREST INCOME 57,707.7 634 loo.2 56132.0 83.4 115.3 424.4 0.0 15.1 0.74% 0.00% 15.08% TOTAL REVENUES 57.a91.3 58,330.E 439.5 0.76% POSTMASTERS MANAGERS, SUPERVISORS 8 TECHNICAL PERSONNEL CLERKS 8 MAILHANDERS CLERKS, CAG K POST OFFICES GIN DELIVERY CARRIERS VEHICLE SERVICE DRIVERS SPECIAL DELIVERY MESSENGERS RURAL CARRIERS CUSTODIAL 8 MAINTENANCE SERVICES MOTOR VEHICLE SERVICES MISCELLANEOUS LOCAL OPERATIONS CONTRACTURAL TRANSPORTATION OF MAIL BUILDING OCCUPANCY SUPPLIES 8 SERVlCES RESEARCH .S DEVELOPMENT HQ 8 AREA ADMIN. 8 CORPORATEWIDE PERSONNEL COSTS EQUIPMENT MAINT. B MANAGEMENT TRAINING SUPPORT DEPRECIATION, WRITE-OFFS, CLAIMS, 8 INTEREST 1.668.9 3,355.5 17.062.7 9.7 11.616.3 433.5 109.7 3575.8 2,1689 619.3 279.1 4,112.7 1,412.Z 2.707.1 54.2 4,1693 36.4 3.647.3 1,?07.2 3.367.2 17.287.7 9.1 11.818.5 441.2 103.3 3.528.3 2,220s 651.1 292.5 4,053.l 1.326.0 2.3666 664 3,999.7 29.1 3.772.7 36.3 31.7 225.0 (0.6) .2.1 7.8 (6.4) (47.6) 31.6 31.6 13.5 (59.6) (84.3) (338.4) 14.2 (166.6) (7.3) 125.4 2.29% 0.84% 1.32% -6.45% 0.02% 1.79% -5.60% -1.33% 1 .&I% 5.14% 4.83% -1.45% -5.97% -12.50% 2913% 4.00% -19.93% 3.44% 57,255.? 57,066.4 (189.4) -0.33% 6356 1,?I544 NET INCOME (LOSS) EXHIEIT USPS-RI-1 1B Impact of Known Changes on Docket R97-1 Test Year Accrued Costs ww Description Empbyw Personnel Cost Level (FY 97) Employee Personnel Cost Level (FY 96) CSRS Unfunded Liability Principal CSRS Unfwded Liabiiii Interest CSRS Ann&ant COLA Principal 41 Ann&ant HeaId? Esneflk Repricing of Annual Leave Personnel Related Cost Reductbns (FY 91) 5/ Perscnnel Related Cost Reductions (FY Se) 6/ Personnel Related Other Programs (FY 97) 5/ Personnel Related Dther Progwns (FY g6) 51 Wwkload 51 Mix Adjustment 51 POD Workers’ Compensatatbn 91 Note Interest (achial borrowing) 6/ Capitalized Interest 7/ Transport&-x 1II All Dther Non-Personnel 1 I/ Othar Programs 12/ FY 97 Vdume Variability Adjustment 13/ Building Depreciation (FASS 121) 61 Totals cost Segmeni Component VSriWS Various VMOUS 203 1436 1435 208 199 Various VaiiOUS Various VZlriOUS Various Z3.256.257 205 567 667 Various Various VariOUS 253,75 236 16 M 16 16 19 VSdOUS VtiOUS Various 3.6.7 18 20 20 14 V&lUS VSriOUS 3,ll 20 COLAS l/ (12.396 (195,400 (9,615 (6.251 Oct. 1, 1997 FERS Cont. Rate Chg. 2J Jan. 3. 1998 Health Ben. ‘rem. Chg. : (102,346 (23,055 Actual Ihlffatbn Indexes Other (12.39’3 (32q607) (9.615) (6.251) (27,159) (1.749) (27,159~ (1,74! (3,2181) (3.214 28 7,4x (13 (3.91. (6.36! (674 14.33l [116.32( 23.4Dl (ne,seo) r0te 101 (102.346 (24.6Ot 261 7.430 (131) cu11) WW (57.560: 654 (674) 14,330 (116.320) 29.4co (57,560) 654 361.609 (55,296) 15.w (64,oss; ~194.950), l-August 30,1997 COLA estimated at $333 w. actual of $166. March 14, 1998 COLA estimated at $270 vs. $167 actual. See my workpapers 2. FERS Contribution rate decreases from 11.4% to 10.7% on 10/l/67. See my workpapers. 5 Empbyer share of health berefti premiums to increase 3.72% for~empbyees and 4.6% for annuitants versus estimate of 5.0%. Sea my workpapers 4- CSRS annutint cda revised to refkct actual PC! IV 1997 actual CPI-W. See my workpapers. 5. Cost reductions. other programs, workbad (mail volume, mm-volume workload and additional workday) and mix adjustment recakulated to n%ct updated cost level factor due to revised cola, heaith beneM premiums and FERS conribtion rate. See my workpapers 6 Note interest adjusted to reflect impact of actual borrowing in FY 1997. See OCAIUSPS-106 and LR H-12 Vlb. 7. Interest capitdized revised to reflect actual experience in estimation methcdolcgy. See my workpapers. 6. Building depreciafon revised to reflect anticipated mite off of impaired assets (FASS 121). Judgementally determined by technical staff 9. FY 98 POD workers’ compensation cost reflects liabilii transfer to USPS under Public Law 105-U. See OCAIUSPS-Tto-1, 10 These amounts adjust the test year after rates expenses contained in the Docket R!37-1filing. FY 97 impeck of these changes which carryover into the test year have also been estimated. 11. Substitution of actual FY 97 infkatiin indexes for DRI forecast used in rate filing. See Exhibk USPS-RT-i1G. 12. Net impact of deferredlaccelerated programs. See Exhibit USPS RT-11 E. 13. Corn&ion of error in USPS-T-15 Appendix A. See response to POIR 12.7. EXHIBIT USPS-RT-11 C Impact of Updating on Docket R97-1 Test Year Revenue Requirement Dollars in Millions Original Filing 11 Updates Revised Test Year Total Revenue I 61,651X 1 1 Total Accrued Costs Contingency I 60,563.6 1 605.6 1 (195.0)) 299.9 1 Expenses With Contingency I 61.169.3 1 104.9 / 61.274.2 1 Prior Years’ Loss Recovery I 446.9 ( (69.9)( 3773 ITotal Revenue Requirement I 61,616.Z 1 35.1 ( Net Surplus (Deficiency) I 35.6 1 (35.1)1 61.651.8 1 60.368.7 905.5 61,651.3 ( og IPrior Years’ Loss Recovery Calculation Original Filing 2/ 5658.0 635.6 1,000.0 4,022.4 Deficit from Operations FY 72 - FY 96 FY 97 Net Income Less: Funds from PL No. 94-421 Amount of Recovery Required IAnnual Increment @ l/9 11 USPS-9A 2l Table 53, USPS-T-9 I 446.91 Updates 628.8 (628.8) -69.91 Revised Test Year 5.658.0 1,264.4 1,000.0 3.393.6 377.11 EXHIBIT USPS-RT-I 1E Major Program Changes Impacting Docket R97-I Test Year Dollars in Thousands II Library Reference H-IO Exhibit B (61% of non-personnel costs estimated to slip by program manager). 2/ Library Reference H-10 Exhibit C (96% of non personnel cost savings and 100% of personnel cost savings estimated to slip by program manager). 3/Additional ADP contractual services required to accelerate Year 2000 Software Program. Estimate developed by program managen. 4/Addllional mail transportation equipment required due to delay in opening of Mail Transportation Equipment Support Centers. Estimate developed by program managers. 51 Highway transportation service initiatives. See Exhibit F.
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